11
Buyer Packets/Books
– Agents are encouraged to schedule a consultation session with
buyers prior to showing properties and to provide an information packet/book. Printable
materials and suggestions for customizing/personalizing are available on the agent
intranet.
Agents must review the following page regarding Federal Fair Housing Act advertising
guidelines.
Fair Housing - Advertising Guidelines
Complaints filed with HUD are investigated by the Office of Fair Housing and Equal
Opportunity (FHEO). If the case proceeds to trial before an administrative law judge or
Hearing Examiner, or to a state or federal judge, the respondent may be held liable for
compensatory and punitive damages and may be subject to injunctive relief. This means
that one poorly written advertisement can be costly.
Section 804(c) of the Fair Housing Act prohibits the making, printing and publishing of
advertisements that state a preference, limitation or discrimination on the basis of race,
color, religion, sex, handicap, familial status, or national origin. The prohibition applies to
publishers, such as newspapers and directories, as well as to persons and entities who
place real estate advertisements.
The following is policy guidance from HUD.
1. Race, color, national origin. Real estate advertisements should state no discriminatory
preference or limitation on account of race, color, or national origin. Use of words
describing the housing, the current or potential residents, or the neighbors or
neighborhood in racial or ethnic terms (i.e., white family home, no Irish) will create
liability under this section. However, advertisements that are facially neutral will not
create liability. Thus, complaints over use of phrases such as master bedroom, rare find,
or desirable neighborhood should not be filed.
2. Religion. Advertisements should not contain an explicit preference, limitation or
discrimination on account of religion (i.e., no Jews, Christian home). Advertisements
which use the legal name of an entity which contains a religious reference (for example,
Roselawn Catholic Home), or those which contain a religious symbol, (such as a cross),
standing alone, may indicate a religious preference. However, if such an advertisement
includes a disclaimer (such as the statement “This Home does not discriminate on the
basis of race, color, religion, national origin, sex, handicap or familial status”) it will not
violate the Act.
AGENCY POLICY & PROCEDURES
(cont.)